Proposed Rule Summary. Medicare Inpatient Psychiatric Facility Prospective Payment System Program Year: FY2019
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1 Proposed Rule Summary Medicare Inpatient Psychiatric Facility Prospective Payment System Program Year: FY2019 May
2 TABLE OF CONTENTS Overview and Resources... 2 IPF Payment Rates... 2 Wage Index, and Labor-Related Share... 3 Adjustments to the IPF Payment Rates... 3 ED Adjustment... 3 Teaching Adjustment... 3 Rural Adjustment... 3 Patient Condition (MS-DRG) Adjustment... 4 Patient Comorbid Condition Adjustment... 4 Patient Variable Per Diem Adjustment... 4 Outlier Payments... 5 Updates to the IPF Cost-to-Charge Ratio (CCR) Ceiling... 5 Comment Solicitation on IRF PPS Refinements... 6 IPF Quality Reporting (IPFQR) Program... 6 CMS Request for Information (RFI)... 8 If you have any questions about this summary, contact Kathy Reep, FHA vice president of financial services, by at kathyr@fha.org or by phone at (407)
3 OVERVIEW AND RESOURCES On April 27, 2018, the Centers for Medicare & Medicaid Services (CMS) released the display copy of the federal fiscal year (FY) 2019 proposed payment rule for the inpatient psychiatric facility prospective payment system (IPF PPS). The proposed rule reflects the annual update to the Medicare fee-for-service (FFS) IRF payment rates and policies. A copy of the proposed rule Federal Register and other resources related to the IPF PPS are available on the CMS Web site at Payment/InpatientPsychFacilPPS/index.html. An online version of the proposed rule is available at inpatient-psychiatric-facilities-prospective-payment-system-and-quality. A summary of the proposed rule is provided along with page references for additional details are provided below. Program changes proposed by CMS would be effective for discharges on or after October 1, 2018, unless otherwise noted. Comments on the proposed rule are due to CMS by June 26, 2018 and can be submitted electronically at by using the Web site s search feature to search for file codes 1690-P. IPF PAYMENT RATES Display pages Incorporating the proposed updates, with the effect of a budget neutrality adjustment for wage index, the table below lists the IPF federal per diem base rate and the electroconvulsive therapy (ECT) base rate for FY2019 compared to the rates currently in effect: Final FY2018 Proposed FY2019 IPF Per Diem Base Rate $ $ ECT Base Rate $ $ Percent Change +1.4 The table below provides details of the proposed updates to the IPF payment rates for FY2019. FY2019 IPF Rate Update and Budget Neutrality Adjustments (Percent) Market Basket Update +2.8 Patient Protection and Affordable Care Act (PPACA) percentage points Mandated Productivity Market Basket Reduction Patient Protection and Affordable Care Act (PPACA) percentage points Mandated Pre-Determined Market Basket Reduction Wage Index Budget Neutrality Adjustment Overall Rate Change
4 WAGE INDEX, AND LABOR-RELATED SHARE Display pages 14-15, The labor-related portions of the IPF per diem base rate and ECT base rate are adjusted for differences in area wage levels using a wage index. As has been the case in previous years, CMS proposes that the Medicare payment rates for IPFs use the FY2018 pre-floor, pre-reclassification IPPS wage index for FY2019, to adjust payment rates for labor market differences. Based on updates to this year s market basket value, CMS has proposed to slightly reduce the labor-related share of the IPF per diem base rate and ECT base rate from 75.0 percent in FY2018 to 74.8 percent for FY2019. This change will provide a small increase in payments to IPFs with a wage index less than 1.0. A complete list of the proposed IPF wage indexes for payment in FY2019 is available on the CMS Web site Service-Payment/InpatientPsychFacilPPS/WageIndex.html. CMS is proposing to apply a budget neutrality factor of for FY2019 to ensure that aggregate payments made under the IPF PPS are not greater or less than would otherwise be made if wage adjustments had not changed. ADJUSTMENTS TO THE IPF PAYMENT RATES Display pages For FY2019, CMS is proposing to retain the facility and patient-level adjustments currently used for FY2018 IPF PPS. The adjustments are described in detail below. ED Adjustment (Display pages 37-38): For FY2019, IPFs with a qualifying emergency department (ED) are proposed to continue to receive an adjustment factor of 1.31 as the variable per diem adjustment for the first day of each stay. This adjustment is intended to account for the costs associated with maintaining a full-service ED. The ED adjustment applies to all IPF admissions, regardless of whether a patient receives preadmission services in the hospital s ED. A 1.19 ED adjustment is made when a patient is discharged from an acute care hospital or Critical Access Hospital (CAH) and admitted to the same hospital or CAH s psychiatric unit. Teaching Adjustment (Display pages 32-34): CMS is proposing that IPFs with teaching programs will continue to receive an adjustment to the per diem rate to account for the higher indirect operating costs experienced by hospitals that participate in graduate medical education (GME) programs. CMS is proposing to maintain the teaching adjustment factor at for FY2019. The teaching adjustment is based on the number of full-time equivalent (FTE) interns and residents training in the IPF and the IPF s average daily census (ADC). CMS is also proposing to maintain the formula to calculate the teaching adjustment and to continue to allow temporary adjustments to FTE caps to reflect residents added due to closure of an IPF or a closure of an IPF s medical residency training program. Rural Adjustment (Display page 31): Since 2004, IPFs located in rural areas received an adjustment to the per diem rate of This adjustment was provided because an analysis by 3
5 CMS determined that the per diem cost of rural IPFs was 17 percent higher than that of urban IPFs. Patient Condition (MS-DRG) Adjustment (Display pages 19-22): For FY2019, CMS is proposing to continue to use the Medicare-Severity Diagnosis Related Group (MS-DRG) system used under the IPPS to classify Medicare patients treated in IPFs. As has been the case in prior years, principal diagnosis codes (ICD-10-CMs) that group to one of 17 MS- DRGs recognized under the IPF PPS will receive a DRG adjustment. Principal diagnoses that do not group to one of the designated MS-DRGs recognized under the IPF PPS still receive the federal per diem base rate and all other applicable adjustments, but the payment will not include a DRG adjustment. The following table lists the 17 MS-DRGs that CMS is proposing to be eligible for a MS-DRG adjustment under the IPF PPS for FY2019. These are the same adjustment levels currently in place. MS-DRG Description Adjustment Factor 056 Degenerative nervous system disorders w MCC Degenerative nervous system disorders w/o MCC Non-traumatic stupor & coma w MCC Non-traumatic stupor & coma w/o MCC O.R. procedure w principal diagnoses of mental illness Acute adjustment reaction & psychosocial dysfunction Depressive neuroses Neuroses except depressive Disorders of personality & impulse control Organic disturbances & mental retardation Psychoses Behavioral & developmental disorders Other mental disorder diagnoses Alcohol/drug abuse or dependence, left AMA Alcohol/drug abuse or dependence w rehabilitation therapy Alcohol/drug abuse or dependence w/o rehabilitation therapy w MCC Alcohol/drug abuse or dependence w/o rehabilitation therapy w/o MCC 0.88 Patient Comorbid Condition Adjustment (Display pages 23-25): For FY2019, CMS is proposing that the IPF PPS will continue to recognize 17 comorbidity categories for which an adjustment to the per diem rate can be applied. For each claim, an IPF may receive only one comorbidity adjustment per comorbidity category, but it may receive an adjustment for more than one category. The following table lists the proposed comorbid condition payment adjustments for FY2019. These are the same adjustment levels currently in place. Age Adjustment Factor Age Adjustment Factor Under and under and under and under and under and under and under and over and under Patient Variable Per Diem Adjustment (Display page 26): For FY2019, the per diem rate is proposed to continue to be adjusted based on patient length-of-stay (LOS) using variable 4
6 per diem adjustment. Analysis by CMS has shown that per diem costs decline as the LOS increases. Currently, variable per diem adjustments begin on day 1 (adjustment of 1.19 or 1.31 depending on the presence of an ED see ED Adjustment section) and gradually decline until day 21 of a patient s stay. For day 22 and thereafter, the variable per diem adjustment remains the same each day for the remainder of the stay. The following table lists the proposed variable per diem adjustment factors for FY2019. These are the same adjustment levels currently in place. Day-of-Stay Adjustment Factor Day-of-Stay Adjustment Factor Day (w/o ED) or 1.31 (w/ed) Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day Day After Day OUTLIER PAYMENTS Display pages Outlier payments were established under the IPF PPS to provide additional payments for extremely costly cases. Outlier payments are made when an IPF s estimated total cost for a case exceeds a fixed dollar loss threshold amount (multiplied by the IPF s facility-level adjustments) plus the federal per diem payment amount for the case. Costs are determined by multiplying the facility s overall cost-to-charge ratio (CCR) by the allowable charges for the case. When a case qualifies for an outlier payment, CMS pays 80 percent of the difference between the estimated cost for the case and the adjusted threshold amount for days 1 through 9 of the stay and 60 percent of the difference for day 10 and thereafter. The varying 80 percent and 60 percent loss sharing ratios were established to discourage IPFs from increasing patient LOS in order to receive outlier payments. CMS has established a target of two percent of total IPF PPS payments to be set aside for high cost outliers. To meet this target for FY2019, CMS is proposing an outlier threshold of $12,935, a 13.2 percent increase over the 2018 threshold of $11,425. UPDATES TO THE IPF COST-TO-CHARGE RATIO (CCR) CEILING Display pages CMS applies a ceiling to IPF s CCRs. If an individual IPF s CCR exceeds the appropriate urban or rural ceiling, the IPF s CCR is replaced with the appropriate national median CCR for that fiscal year, either urban or rural. The national urban and rural CCRs and the national urban and rural CCR ceilings for IPFs are updated annually based on analysis of the most recent data that are available. The national median CCR is applied when: 5
7 New IPFs have not yet submitted their first Medicare cost report; IPFs overall CCR is in excess of three standard deviations above the corresponding national CCR ceiling for the current fiscal year; Accurate data to calculate an overall CCR are not available for IPFs. CMS is proposing to continue to set the national CCR ceilings at three standard deviations above the mean CCR and, therefore, the national CCR ceiling for FY2019 for rural IPFs is proposed to be and for urban IPFs. If an individual IPF s CCR exceeds this ceiling for FY2019, the IPF s CCR will be replaced with the appropriate national median CCR, urban or rural. CMS is proposing a national median CCR of for rural IPFs and for urban IPFs. COMMENT SOLICITATION ON IRF PPS REFINEMENTS Display pages CMS has delayed making refinements to the IPF PPS until having completed a thorough analysis of IPF PPS data. CMS preliminary analysis has revealed variation in cost and claims data, particularly related to labor costs, drug costs, and laboratory services. CMS is soliciting comments about differences in the IPF labor mix, IPF patient mix, and in provision of drugs and laboratory services. IPF QUALITY REPORTING (IPFQR) PROGRAM Display pages IPFs that do not successfully participate in the IPFQR program are subject to a two percentage point reduction to the market basket update for the applicable year. CMS is considering options to improve health disparities among patient groups within and across hospitals by increasing transparency of disparities through quality measures and quality programs. The previously finalized number of measures for the FY2020 payment determination and subsequent years totals to 18 as set forth below: NQF # Payment Measure Determination Year HBIPS-2 Hours of Physical Restraint Use #0640 FY2015 and beyond HBIPS-3 Hours of Seclusion Use #0641 FY2015 and beyond HBIPS-5 Patients Discharged on Multiple Antipsychotic Medications with #0560 FY2015 and beyond Appropriate Justification SUB-1 Alcohol Use Screening #1661 FY2016 and beyond FUH Follow-Up After Hospitalization for Mental Illness #0576 FY2016 and beyond Assessment of Patient Experience of Care N/A FY2016 and beyond Use of an electronic health record N/A FY2016 and beyond IMM-2 Influenza Immunization #1659 FY2017 and beyond Influenza Vaccination Coverage Among Healthcare Personnel #0431 FY2017 and beyond TOB-1 Tobacco Use Screening #1651 FY2017 and beyond TOB-2/2a Tobacco Use Treatment Provided or Offered and Tobacco Use #1654 FY2017 and beyond Treatment 6
8 Measure TOB-3/3a Tobacco Use Treatment Provided or Offered at Discharge and Tobacco Use Treatment at Discharge SUB-2/2a Alcohol Use Brief Intervention Provided or Offered and Alcohol Use Brief Intervention Transition record with specified elements received by discharged patients Timely transmission of transmission record Screening for Metabolic Disorders Measure SUB-3/3a Alcohol and Other Drug Use Disorder Treatment Provided or Offered at Discharge and Alcohol and Other Drug Use Disorder Treatment at Discharge 30-Day All-Cause Unplanned Readmission Following Psychiatric Hospitalization inn an Inpatient Facility NQF # #1656 Payment Determination Year FY2018 and beyond #1663 FY2018 and beyond #0647 #0648 N/A FY2018 and beyond FY2018 and beyond FY2018 and beyond #1664 FY2019 and beyond #2860 FY2019 and beyond CMS is proposing an additional factor to consider when evaluating measures for removal from the IPFQR program measure set: the costs associated with a measure outweigh the benefit of its continued use in the program. For the FY2020 and subsequent years, CMS is proposing to remove eight measures (the first five due to costs outweighing benefits and the last three due to measures being topped-out) from the IPFQR program: Influenza Vaccination Coverage Among Healthcare Personnel (NQF #0431); SUB-1 Alcohol Use Screening (NQF #1661); Assessment of Patient Experience of Care; Use of an electronic health record; TOB-3/3a Tobacco Use Treatment Provided or Offered at Discharge and Tobacco Use Treatment at Discharge (NQF #1656); TOB-1 Tobacco Use Screening (NQF #1651); HBIPS-2 Hours of Physical Restraint Use (NQF #0640); and HBIPS-3 Hours of Seclusion Use (NQF #0641). CMS is considering proposing measures that meet the following needs in future program years: A process measure that measures administration of a standardized depression instrument; and A patient reported outcome measure which assesses change in patient-reported function based on the change in results on the standardized depression assessment instrument between admission and discharge. Currently, the IPFQR program uses aggregate measure data reporting which can create difficulties when detecting error. Therefore, CMS is considering requiring patient-level data reporting of the IPFQR program measure data in the future instead to improve detection of error. Lastly, in the current IPFQR program CMS requires IPFs to submit non-measure data i.e., aggregate population counts and sample size counts (for measures for which sampling is 7
9 performed) for Medicare and non-medicare discharges by age group and diagnostic group on a yearly basis. The requirement to submit the sample size counts has created confusion for some facilities and, therefore, CMS is proposing to no longer require facilities to report the sample size counts for measures for which sampling is performed, beginning FY2020. CMS REQUEST FOR INFORMATION (RFI) Display pages With this proposed rule, CMS is issuing an RFI on Promoting Interoperability and Electronic Healthcare Information Exchange through Possible Revisions to the CMS Patient Health and Safety Requirements for Hospitals and Other Medicare- and Medicaid-Participating Providers and Suppliers. This RFI is to solicit feedback on positive solutions to better achieve interoperability on the sharing of health care data between providers. Submissions will be considered in developing future regulatory proposals or sub-regulatory guidance. 8
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